ME Insurance Bulletin 358
Business Continuity Planning
Length: 358 wordsOfficial source
BULLETIN 358
BUSINESS CONTINUITY PLANNING
Events such as the H1N1 pandemic recently declared by the World Health Organization
underscore the need for insurance carriers to maintain adequate business continuity plans.
Carriers play a vital role in responding to claims in the wake of disasters. In Maine, insurance
companies have a history of responding well to local natural disasters, including the Patriot’s
Day storm of 2007 and the St. John River flood of 2008. A hallmark of a well-functioning
market is how well insurers keep their operations going in the midst of a health or natural event
of catastrophic proportions. Therefore, the Superintendent issues this bulletin to remind all
carriers doing business in Maine of the need to have in place business continuity plans that
ensure policyholder access to insurance benefits during and after a disaster, including a public
health emergency.
Maine law requires insurers to conduct their business in a sound and prudent manner, and
requires the Superintendent to review the management and operations of insurers in accordance
with the financial examination criteria adopted by the National Association of Insurance
Commissioners and published in its Financial Condition Examiners Handbook. As noted at
Section 3.III.D of the Handbook, reviewing a carrier’s business continuity plan is an established
part of financial condition examinations. Each insurance carrier doing business in Maine should
ensure that its business continuity plan appropriately meets the objectives set forth in the
Handbook:
•
minimizing financial loss;
•
continuing to serve policyholders and financial market participants;
•
mitigating the negative effects that disruptions can have on a carrier’s strategic plans,
reputation, operations, liquidity, credit ratings, market position and ability to remain in
compliance with laws and regulations.
Should a catastrophe affect Maine, the Superintendent will closely monitor carriers’ response in
light of the Handbook’s criteria and Maine laws regulating claims handling.
June _____, 2009
______________________________________
Mila Kofman
Superintendent of Insurance
NOTE: This bulletin is intended solely for informational purposes. It is not intended to set forth
legal rights, duties or privileges nor is it intended to provide legal advice. Readers should consult
applicable statutes and regulations and contact the Bureau of Insurance if additional information
is needed.